ANTICORRUPTION POLICY OF THE TELECOM ITALIA GROUP

Size: px
Start display at page:

Download "ANTICORRUPTION POLICY OF THE TELECOM ITALIA GROUP"

Transcription

1 ANTICORRUPTION POLICY OF THE TELECOM ITALIA GROUP Approved on 6 December 2012 CONTENTS Article 1 Premise pag. 2 Article 2 - Purpose and scope pag. 2 Article 3 - Persons to whom this Policy is directed pag. 2 Article 4 - References pag. 2 Article 5 - General Principles pag. 2 Article 6 - Senstive Areas pag. 3 Article 7 - Miscellaneous matters pag. 5

2 1. PREMISE The Group companies base their business activities on the respect of the values and principles set out in the Code of Ethics and Conduct, in the belief that business conduct cannot prescind from ethics. In this regard, the Group Companies specifically must reject and stigmatize recourse to illegal and improper conduct (including corrupt practices of any kind) in order to achieve their business objectives. 2. PURPOSE AND SCOPE This document (the Policy ) aims at providing a systematic framework to counter corrupt practices for the Telecom Italia Group. The Policy is valid for the entire Telecom Italia Group. For the purposes of the Policy: by a public subjects we intend representatives of the subjects listed by way of example in 231 Organisational Model and their foreign counterparts, if not already included in the aforementioned list, as defined by the applicable laws; by a private subject we intend any other subject; by a subject's family member we intend his/her spouse, as long as he/she is not legally separated, domestic partner, parents, children, brothers and sisters and those of his/her spouse, as long as he/she is not legally separated or his/her domestic partner. 3. PERSON TO WHOM TIHS POLICY IS DIRECTED The Persons to whom the Policy is directed are the members of the senior management (as defined in the 231 Organisational Model and the governing bodies of all Group companies, all the employees of the Telecom Italia Group and the collaborators and third parties in business relationships with the Group. 4. REFERENCES [1] Code of Conduct and Ethics of Telecom Italia Group [2] 231 Organisational Model [3] Policy for managing conflict of interest. 5. GENERAL PRINCIPLES As provided by article 6 of the Code of Ethics, without exception, any practice of corrupt nature is prohibited. Without prejudice to the rigorous respect of 231 Organisational Model, it is specifically prohibited to receive, demand, give or offer, directly or indirectly, compensation of any kind, gifts, economic or other benefit from, or to, a public or private subject and/or directly or indirectly represented that: (a) exceed a modest value and the limits of reasonable courtesy and practice, and however, (b) are likely to be interpreted as intended to unduly influence the relations between the Group Companies and the abovementioned subject and/or the entity that directly or indirectly is represented, regardless of the purpose of pursuing, even exclusive, the individual Company or Group interest or advantage. Neither facilitation payments, are allowed, i.e. payments not official of modest value, made in order to speed up, favour or ensure the execution of a routine or however planned activity as part of the duties of the public or private subject with which the Group companies have relations. 2

3 Each activity carried out in the sensitive areas referred to in paragraph 5 must be correctly and accurately reflected in the accounting documents. It is in fact the responsibility of the Group Companies to prepare the financial reports that accurately, correctly, and with a reasonable detail reflect all its transactions, as well as to establish and carry out adequate controls to provide reasonable assurance that: the transactions are actual and carried out only with the authorization of the management; the transactions are recorded in order to allow the preparation of the financial reports in accordance with the relevant accounting standards; the value of the assets included in the financial reports is encountered, with reasonable frequency, with inventories and appropriate measures are taken with regard to the differences encountered. The use of personal funds or means in order to circumvent the application of this Policy is strictly prohibited. 6. SENSITIVE AREAS The obligations and limits set out in this Policy apply with regard to the public and private subjects, and/or the entities they directly or indirectly represent with which the Group companies have or might have business relations, If economic or other benefits are assigned to relatives of the above mentioned subjects, or of the senior management or of the employees of Group companies, such benefits are considered potential indicators of activities of a corrupt nature, and are therefore prohibited, except as provided for by the internal procedures. To counter corrupt practices a specific monitoring is required, in particular in the following sensitive areas: gifts and representation expenses; events and sponsorship; donations/membership fees/ non-profits; consulting, intermediation, relationships with business partners and suppliers; joint ventures, acquisitions and disposals. Gifts and representation expenses to public or private subjects Without prejudice to the general prohibition of undue influence on relations with third parties as regards Group business, gifts and representation expenses (including meals, travel or other entertainment) offered to public or private subjects: must, in any circumstance: (a) be carried out in relation to actual business purpose, (b) be reasonable and in good faith, (c) respect the applicable procedures and rules, including the specific authorization process, (d) be registered and supported by appropriate documentation, and may never consist of sums of money. With regard to travel on non-scheduled aircraft, it is specifically prohibited from use in favour of public subjects, and specific prior authorisation is required in the event of use in favour of private subjects. Regarding the economic limits and types of gifts and representation expenses, and the related manners for performing and recording them, please refer to relevant internal procedures. The facilities and products/services provided by Group Companies are offered, without exception, at the same terms and conditions applied to customers with the same characteristics in the normal business activity. Gifts and representation expenses to employees and senior management 3

4 In addition, gifts and representation expenses (including meals, trips or other entertainment) offered to Group companies employees and to senior management: must, in any circumstance: (a) be carried out in relation to actual business purposes, (b) be reasonable and in good faith, (c) be registered in appropriate documentation, and may never consist of sums of money. Regarding the economic limits and types of gifts and representation expenses and the related manners for performing and recording them, please refer to relevant internal procedures, which - in the case of non-compliance with the above and/or overcoming of the economic limits (and in any doubtful cases) - must also discipline the arrangements for returning gifts, or devolving them to charities. Events and sponsorship Since corrupt acts can be carried out through the organisation of events and the granting of sponsorship, in accordance with the relevant procedures, a real connection to the business purposes must however be preserved, within the criteria of reasonableness and good faith, as well as the respect for the specific authorisation process, the registration and documentation requirements and the specific economic limits. Donations/membership fees/ non-profits Donations, gifts and/or participation in charitable organizations, foundations, non-profit organisations ( contributions ) have the risk that funds or assets of value are diverted for personal use or benefit of public or private subjects. All contributions must, therefore, be performed in accordance with internal procedures, however complying with the following minimum standards: can only be made in favour of institutions of proven reliability and recognised reputation for honesty and fair practices; the prior authorization process provides an adequate description of the nature and purpose of the contribution, a due diligence on the beneficiary institution, and a review of the legality of the contribution in accordance with the applicable laws; these contributions can be made as long as they are in accordance with a budget drawn up on the basis of cost-effectiveness and reasonableness and approved in accordance with the authorization process established by the internal procedures. Consulting, intermediation, relationships with business partners and suppliers The process of selection of consultants (including agents, intermediaries, business partners and suppliers) must include an adequate due diligence, to at least: establish their identity, experience, qualifications and reputation; ensure that the consultant has the necessary technical/professional/organisational requirements and the potential to provide by himself the service; ascertain if the consultant has been subject to judgements, even if not -definitive, and to Investigations of bribery or corruption or any other illegal activity or in any case at risk of red flags. Contracts with consultants must be drafted in accordance with the instructions contained in the internal procedures and must provide for the right of the Group companies to terminate the relationship in case of violation, among others, of the applicable laws on countering corrupt practices. The management responsible for the relationship with the consultants must verify that the service has actually been carried out and the adequacy of the fee. 4

5 Joint ventures, acquisitions and disposals Joint ventures, acquisitions and disposals must be undertaken in accordance with the internal procedures. In any case, appropriate due diligence must be carried out in order to identify the main corruption risk factors of corruption and red flags. Whenever an acquisition is carried out, a plan for compliance with this Policy must be activated as an essential part of the post-acquisition integration plan. 7. MISCELLANEOUS MATTERS No practice qualified as corrupt nature, including facilitation payments, may be justified or tolerated by the fact that it is habitual/consuetudinary in the business sector or Country in which the activity is carried out. I Is not permitted to impose or accept any service, if it can be realized only compromising the values and principles of the Code of Ethics or in violation of the applicable regulations and procedures. None of the persons to whom this procedure is directed is discriminated against or punished in any way for having refused to carry out a corrupt or potentially corrupt act, even if this refusal has caused the loss of a business or other detrimental consequence for the business. In case of violation of this Policy, of the internal procedures referred to herein and/or of the applicable law, sanctions are imposed against the responsible in accordance with the provisions by law, collective agreements and contracts. Any changes to this Policy shall be subject to approval by the Board of Directors of Telecom Italia. The adoption, adaptation and modification to the procedures referred to in this Policy are subject to the approval of senior management. 5

ANTI-BRIBERY COMPLIANCE POLICY

ANTI-BRIBERY COMPLIANCE POLICY ANTI-BRIBERY COMPLIANCE POLICY (Revised September 2016) Executive Summary The purpose of this Policy is to assist employees in understanding, identifying and complying with applicable anti-bribery standards.

More information

MTI WIRELESS EDGE LTD - Anti-Bribery Compliance Policy

MTI WIRELESS EDGE LTD - Anti-Bribery Compliance Policy Purpose - The purpose of this Policy is to assist directors, officers, employees and business partners in identifying anti-bribery related issues and in understanding and complying with applicable antibribery

More information

NTI-BRIBERY CORRUPTION OLICY

NTI-BRIBERY CORRUPTION OLICY NTI-BRIBERY CORRUPTION OLICY Policy Owner: The Board of Huisman Equipment Document prepared by: Legal Counsel Applicable to: All persons and entities acting for and on behalf of Huisman Version: January,

More information

ABF Anti-Bribery Policy

ABF Anti-Bribery Policy ABF Anti-Bribery Policy Introduction Associated British Foods plc (ABF) is committed to acting professionally, fairly and with integrity in all its business dealings. As part of its commitment to ethical

More information

Anti-Bribery and Corruption Policy. Viva Energy Group Limited (ACN )

Anti-Bribery and Corruption Policy. Viva Energy Group Limited (ACN ) Anti-Bribery and Corruption Policy Viva Energy Group Limited (ACN 626 661 032) Adopted by the Board on 18 June 2018 1 Introduction and purpose 1.1 Viva Energy Group Limited (together with its subsidiaries

More information

Anti-Bribery & Corruption Policy. OneMarket Limited ACN (Company)

Anti-Bribery & Corruption Policy. OneMarket Limited ACN (Company) Anti-Bribery & Corruption Policy OneMarket Limited ACN 623 247 549 (Company) Approved by the Board on 2 May 2018 Anti-Bribery & Corruption Policy Contents 1 Introduction 1.1 Overview 1 1.2 Who does this

More information

UNIVERSAL AVIONICS SYSTEMS CORPORATION Anti-Bribery Compliance Policy

UNIVERSAL AVIONICS SYSTEMS CORPORATION Anti-Bribery Compliance Policy UNIVERSAL AVIONICS SYSTEMS CORPORATION Anti-Bribery Compliance Policy Executive Summary Purpose. The purpose of this Policy is to assist directors, officers, employees, and business partners in identifying

More information

ANTI-BRIBERY AND ANTI-CORRUPTION POLICY

ANTI-BRIBERY AND ANTI-CORRUPTION POLICY INTRODUCTION This Policy sets out the following: 1. Purpose 2. Objective 3. Compliance 4. General policy requirements 5. Corrupt payments prohibited 6. Dealing with public officials 7. Dealing with third

More information

2017 All rights reserved Elbit Systems Anti-Bribery Compliance Policy

2017 All rights reserved Elbit Systems Anti-Bribery Compliance Policy Executive Summary Purpose. The purpose of this Policy is to assist directors, officers, employees and business partners in identifying anti-bribery related issues and in understanding and complying with

More information

Thornhill Associates Anti-Bribery Policy

Thornhill Associates Anti-Bribery Policy Thornhill Associates Anti-Bribery Policy Date: 01 June 2015 Approved by the Board of Directors Introduction Thornhill Associates is committed to conducting its business responsibly and in accordance with

More information

ANTI-BRIBERY & CORRUPTION POLICY. Anti-Bribery Anti-Bribery Policy 1

ANTI-BRIBERY & CORRUPTION POLICY. Anti-Bribery Anti-Bribery Policy 1 ANTI-BRIBERY & CORRUPTION POLICY Anti-Bribery Anti-Bribery Policy 1 INTRODUCTION AND PURPOSE This policy commits the Carlsberg Group to conducting business ethically and with the utmost integrity in all

More information

Anti-Bribery & Corruption Policy

Anti-Bribery & Corruption Policy Anti-Bribery & Corruption Policy TABLE OF CONTENTS 1 INTRODUCTION... 4 2 GENERAL PRINCIPLES... 4 2.1 What is prohibited?... 4 2.2 What does "Anything of Value" mean?... 5 2.3 Who is a "Government Official"?...

More information

Subject ANTI BRIBERY POLICY Section POLICY STATEMENT Sponsor CHIEF LEGAL OFFICER

Subject ANTI BRIBERY POLICY Section POLICY STATEMENT Sponsor CHIEF LEGAL OFFICER Subject ANTI BRIBERY POLICY Section POLICY STATEMENT Sponsor CHIEF LEGAL OFFICER Number Version 1.0 Effective Date: December 2014 Anti Bribery Policy Indivior PLC, its subsidiaries and related companies

More information

Anti-Bribery and Corruption Policy

Anti-Bribery and Corruption Policy Anti-Bribery and Corruption Policy Version Date Document Owner Reviewed by Approved by Rev 0 16 th April 2018 GB BH Anti-Bribery and Corruption Policy Issue Date: 16 th May 2018 Last Review Date: not applicable

More information

KATOEN NATIE ANTI-BRIBERY AND CORRUPTION POLICY

KATOEN NATIE ANTI-BRIBERY AND CORRUPTION POLICY KATOEN NATIE ANTI-BRIBERY AND CORRUPTION POLICY 1. PRINCIPLES 1.1 What do we mean by Ethical Business? As set out in our Corporate Sustainability policy, we are committed to high ethical standards and

More information

Anti-Corruption. Management System Guideline

Anti-Corruption. Management System Guideline Management System Guideline Anti-Corruption 20 December 2011 Approved by the board of eni spa on 15 December 2011 The English text is a translation of the Italian. For any conflict or discrepancy between

More information

SASOL ANTI-BRIBERY POLICY

SASOL ANTI-BRIBERY POLICY SASOL ANTI-BRIBERY POLICY 2 March 2015 Applicable to: All employees within the Sasol Group of Companies Next review date: Document owner: Approver: Date approved: February 2016 Ignatius Pohl Vuyo D. Kahla

More information

ANTI-CORRUPTION AND GIFTS (GLOBAL POLICY GP-20.A)

ANTI-CORRUPTION AND GIFTS (GLOBAL POLICY GP-20.A) ANTI-CORRUPTION AND GIFTS (GLOBAL POLICY GP-20.A) This is a global policy of Armstrong Flooring, Inc. It applies to you, in your capacity as an Armstrong Flooring employee, and to all employees, directors

More information

Anti-Bribery Policy. Gifts include money, goods, services or loans given ostensibly as a mark of friendship or appreciation.

Anti-Bribery Policy. Gifts include money, goods, services or loans given ostensibly as a mark of friendship or appreciation. Anti-Bribery Policy Policy Owner Stephen Martin Date of Approval October 2014 Approved by Club Board Scheduled for next review October 2014 1. Definitions Anti-Bribery & Corruption Officer: Steamship s

More information

Anticorruption Policy

Anticorruption Policy Corporate Policy Approved by the Board of Directors of Telefónica, S.A. at its meeting of December 16, 2015 Telefónica, S.A. December 2015 INDEX Page 1 Explanatory Statement... 3 2 Scope of application

More information

GROUP ANTI-CORRUPTION GUIDELINES. - Extract -

GROUP ANTI-CORRUPTION GUIDELINES. - Extract - GROUP ANTI-CORRUPTION GUIDELINES - Extract - March 2017 INTRODUCTION The Intesa Sanpaolo Group (hereinafter the Group ) is committed to fighting corruption in all its forms, where corruption refers to

More information

SERINUS ENERGY PLC ANTI BRIBERY, ANTI CORRUPTION AND SANCTIONS COMPLIANCE POLICY

SERINUS ENERGY PLC ANTI BRIBERY, ANTI CORRUPTION AND SANCTIONS COMPLIANCE POLICY ANTI BRIBERY, ANTI CORRUPTION AND SANCTIONS COMPLIANCE POLICY 125 Old Broad Street London EC2N 1AR United Kingdom Tel: +44 (0)20 7786 5700 Fax: +44 (0)20 7786 5702 www.mccarthy.ca 1. Policy Statement SERINUS

More information

Anti-bribery policy. Lynas Corporation Limited ACN

Anti-bribery policy. Lynas Corporation Limited ACN Lynas Corporation Limited ACN 009 066 648 Contents Lynas Corporation Limited... 1 1. Introduction... 1 2. Application... 1 3. Objectives... 2 4. Bribes... 2 5. Political Contributions and Charitable Contributions/

More information

ANTI-BRIBERY AND CORRUPTION POLICY. Brookfield Asset Management Inc.

ANTI-BRIBERY AND CORRUPTION POLICY. Brookfield Asset Management Inc. ANTI-BRIBERY AND CORRUPTION POLICY Brookfield Asset Management Inc. March 2018 I. Introduction This Anti-Bribery and Corruption Policy ( the Policy ) applies to all directors, officers and employees (collectively,

More information

DOLBY LABORATORIES, INC. ANTICORRUPTION POLICY. (July 23, 2013)

DOLBY LABORATORIES, INC. ANTICORRUPTION POLICY. (July 23, 2013) DOLBY LABORATORIES, INC. ANTICORRUPTION POLICY (July 23, 2013) I. PURPOSE Dolby Laboratories, Inc. and its subsidiaries (Dolby), believes in conducting business around the globe in a legal and ethical

More information

ANTI-BRIBERY POLICY STATEMENT

ANTI-BRIBERY POLICY STATEMENT ANTI-BRIBERY POLICY STATEMENT 1. BACKGROUND AND PURPOSE Department 13 (D13) maintains an Anti-Bribery Policy prohibiting any improper or unethical payment to government officials or a party to a private

More information

Anti-Corruption. Management System Guideline. November 5 th, Approved by the eni spa Board of Directors on October 29 th, 2014

Anti-Corruption. Management System Guideline. November 5 th, Approved by the eni spa Board of Directors on October 29 th, 2014 TITLE PROCEDURE TITLE PROCEDURE TITLE PROCEDURE Management System Guideline Anti-Corruption November 5 th, 2014 Approved by the eni spa Board of Directors on October 29 th, 2014 The English text is a translation

More information

Anti-Bribery & Corruption Policy

Anti-Bribery & Corruption Policy Anti-Bribery & Corruption Policy 3P Learning Limited ( Company ) Dated and amended November 21 2014 King & Wood Mallesons Level 61 Governor Phillip Tower 1 Farrer Place Sydney NSW 2000 Australia T +61

More information

Financial Policies and Procedures Preventing Bribery, Corruption and Money Laundering (August 2018)

Financial Policies and Procedures Preventing Bribery, Corruption and Money Laundering (August 2018) Institute of Development Studies Financial Policies and Procedures Preventing Bribery, Corruption and Money Laundering (August 2018) Contents Page 1. Introduction 1 2. Principles 4 3. Bribery prevention

More information

Anti-Bribery Policy. The Company Compliance Officer is the Director of Organisational Effectiveness.

Anti-Bribery Policy. The Company Compliance Officer is the Director of Organisational Effectiveness. Anti-Bribery Policy Definitions For the purposes of this policy, the terms staff or member of staff/staff member shall mean officers of the Company, employees, service providers, contractors, consultants

More information

PRYSMIAN ANTI-BRIBERY POLICY

PRYSMIAN ANTI-BRIBERY POLICY PRYSMIAN ANTI-BRIBERY POLICY All Prysmian Group employees must follow the Anti-Bribery Policy, and all applicable anti-bribery laws in the country(ies) in which they are employed or active, whichever is

More information

Anti-Bribery and Corruption Policy

Anti-Bribery and Corruption Policy Introduction Crawford & Company and all of its subsidiaries throughout the world ( Crawford or the Company ) acts ethically and complies with all anticorruption laws, including the United States Foreign

More information

GLOBAL ANTI-CORRUPTION POLICY

GLOBAL ANTI-CORRUPTION POLICY GLOBAL ANTI-CORRUPTION POLICY Version of March, 2017 Policy Owner: VP Integrity and Legal Compliance Date Change log March 31 st 2017 Policy release Global Anti-Corruption Policy Page 1 Subject Page 1.

More information

CODE OF CONDUCT AND ETHICS POLICY ON BRIBERY & IMPROPER PAYMENTS

CODE OF CONDUCT AND ETHICS POLICY ON BRIBERY & IMPROPER PAYMENTS CODE OF CONDUCT AND ETHICS POLICY ON BRIBERY & IMPROPER PAYMENTS Magna International Inc. Policy on Gifts & Entertainment 1 POLICY ON BRIBERY & IMPROPER PAYMENTS Magna prohibits bribery and improper payments

More information

Flinders Policy Against Corruption and Bribery

Flinders Policy Against Corruption and Bribery Flinders Policy Against Corruption and Bribery At Flinders Shipbrokers Pty Ltd ( Flinders Shipbrokers of the Company ), we deal honestly with the government, our business partners, our competitors and

More information

Fraud, Bribery and Corruption Control Policy

Fraud, Bribery and Corruption Control Policy Fraud, Bribery and Corruption Control Policy 1. Introduction DuluxGroup acknowledges the need for directors, executives, employees and contractors to observe the highest ethical standards of corporate

More information

Business Ethics: Code of Conduct

Business Ethics: Code of Conduct Business Ethics: Code of Conduct 1 2 Flying Tiger Copenhagen Business Ethics: Code of Conduct Introduction Acting responsibly and with integrity is deeply engrained in the Flying Tiger Copenhagen organisation

More information

Anti-bribery Policy. This policy applies across the IGE Group to all directors and employees of IGE Group companies (IGE personnel).

Anti-bribery Policy. This policy applies across the IGE Group to all directors and employees of IGE Group companies (IGE personnel). Anti-bribery Policy INTRODUCTION AND PURPOSE IGE is committed to complying with the laws and regulations of Myanmar in which its businesses operate and acting in an ethical manner, consistent with the

More information

ANTI-CORRUPTION POLICY

ANTI-CORRUPTION POLICY ANTI-CORRUPTION POLICY 1. INTRODUCTION All of IAVI s dealings with third parties are to be carried out with the highest standards of integrity and in compliance with all relevant laws and regulations.

More information

Management System Guideline. Anti-Corruption. 30 June 2015 MSG-COR-ANC-001-E

Management System Guideline. Anti-Corruption. 30 June 2015 MSG-COR-ANC-001-E Management System Guideline Anti-Corruption 30 June 2015 MSG-COR-ANC-001-E Page 3 of 33 Revision Summary Date Revision Process Owner Checked Approved 30/06/2015 01 M. Colombo LEGAS Regulatory System Technical

More information

POLICY. Tiger Brands Anti-Bribery and Anti-Corruption Policy

POLICY. Tiger Brands Anti-Bribery and Anti-Corruption Policy and Anti- TABLE OF CONTENTS DOCUMENT CONTROL INFORMATION... 3 1 INTRODUCTION... 5 2 SCOPE... 5 3 OBJECTIVE... 5 4 POLICY DETAILS... 6 5 ROLES AND RESPONSIBILITIES... 10 6 COMPLIANCE... ERROR! BOOKMARK

More information

VESUVIUS plc. Anti-Corruption and Bribery Policy GUIDELINES ON BUSINESS CONDUCT IN ORDER TO PREVENT BRIBERY AND CORRUPTION

VESUVIUS plc. Anti-Corruption and Bribery Policy GUIDELINES ON BUSINESS CONDUCT IN ORDER TO PREVENT BRIBERY AND CORRUPTION VESUVIUS plc GUIDELINES ON BUSINESS CONDUCT IN ORDER TO PREVENT BRIBERY AND CORRUPTION 1.0 Introduction 1.1 This Policy has been produced to provide guidance on business ethics. It supplements the principles

More information

PETCO INTERNATIONAL, LLC FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY. Effective: January 1, 2012

PETCO INTERNATIONAL, LLC FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY. Effective: January 1, 2012 PETCO INTERNATIONAL, LLC FOREIGN CORRUPT PRACTICES ACT AND ANTI-BRIBERY POLICY Effective: January 1, 2012 ( PETCO ) must comply with all anti-bribery laws, including the U.S. Foreign Corrupt Practices

More information

Millicom Anti-Corruption Policy

Millicom Anti-Corruption Policy Millicom Anti-Corruption Policy Table of Contents Policy Statement... 2 1.0 Definitions... 2 2.0 General Principle... 4 3.0 Roles and Responsibilities... 5 4.0 Key Provisions of Anti-Corruption Laws...

More information

Anti-Bribery and Corruption Policy

Anti-Bribery and Corruption Policy Anti-Bribery and Corruption Policy Steadfast Group Limited ABN: 98 073 659 677 Anti-Bribery and Corruption Policy 1 Contents Our commitment 2 1. INTRODUCTION 3 1.1 Summary of policy... 3 1.2 Who does this

More information

EFFECTIVE DATE: FEBRUARY 2006 REVISED: JULY 2011; AUGUST 2014

EFFECTIVE DATE: FEBRUARY 2006 REVISED: JULY 2011; AUGUST 2014 I. POLICY CBRE, Inc. and its worldwide subsidiaries (collectively, CBRE ) have adopted the following Policy with respect to all of their global commercial transactions. Oversight of this Policy and CBRE

More information

Anti-Corruption and Anti-Bribery Guidelines Innergex Renewable Energy Inc.

Anti-Corruption and Anti-Bribery Guidelines Innergex Renewable Energy Inc. Anti-Corruption and Anti-Bribery Guidelines Innergex Renewable Energy Inc. ANTI-CORRUPTION AND ANTI-BRIBERY GUIDELINES At Innergex (which includes Innergex Renewable Energy Inc. and all of its subsidiaries),

More information

GRANITE REIT INC. and GRANITE REAL ESTATE INVESTMENT TRUST. Anti-Bribery Policy

GRANITE REIT INC. and GRANITE REAL ESTATE INVESTMENT TRUST. Anti-Bribery Policy GRANITE REIT INC. and GRANITE REAL ESTATE INVESTMENT TRUST Anti-Bribery Policy Application This Anti-Bribery Policy applies to all employees, directors and trustees of Granite REIT Inc. and Granite Real

More information

Code of borrdrilling.com Conduct

Code of borrdrilling.com Conduct borrdrilling.com Code of Conduct 2 Borr Drilling Code of Conduct Borr Drilling Limited shall conduct its business with integrity, respecting the laws, cultures, and rights of individuals in all the countries

More information

GLOBAL ANTI-BRIBERY COMPLIANCE POLICY

GLOBAL ANTI-BRIBERY COMPLIANCE POLICY Page 1 of 5 OVERVIEW OF THE POLICY Together with the PepsiCo Global Code of Conduct, this policy emphasizes PepsiCo s obligation to act ethically and responsibly in all business dealings by providing a

More information

Anti-Bribery and Corruption Policy

Anti-Bribery and Corruption Policy Anti-Bribery and Corruption Policy 1 Introduction Saracen is committed to conducting its business and activities with integrity. To achieve this objective: Saracen will not engage in corrupt business practices;

More information

UNIVERSITY OF BATH Anti-Bribery Policy V2.1

UNIVERSITY OF BATH Anti-Bribery Policy V2.1 ANTI-BRIBERY POLICY 1 INTRODUCTION 1.1 Purpose of Policy The University of Bath is committed to ethical standards of business conduct, and adopts a zero-tolerance approach to bribery and corruption in

More information

EVRAZ Anti-Corruption Policy

EVRAZ Anti-Corruption Policy EVRAZ Anti-Corruption Policy 1. GENERAL PROVISIONS 1.1 Purpose and Objectives of the Policy 1.1.1. EVRAZ Anti-Corruption Policy (hereinafter - the Policy ) is the underlying document establishing the key

More information

Anti-Bribery Manual for Saferoad Group

Anti-Bribery Manual for Saferoad Group Anti-Bribery Manual for Saferoad Group Table of Contents 1. Introduction to Anti-Bribery 5 2. Executive Summary 7 3. Fundamental Requirements 8 4. Expected Conduct 8 4.1 Key Principles 8 4.2 The definition

More information

GLOBAL ANTI-CORRUPTION POLICY

GLOBAL ANTI-CORRUPTION POLICY GLOBAL ANTI-CORRUPTION POLICY Contents Foreword by the Chief Executive Officer 2 Glencore s objective a Compliance Culture 3 1. Introduction 4 2. What is bribery? 5 3. Applying the law on bribery in practice

More information

Breaching anti-bribery and anti-corruption law is a serious offence and represents a failure of our commitment to business integrity.

Breaching anti-bribery and anti-corruption law is a serious offence and represents a failure of our commitment to business integrity. Anti-Bribery and Anti- Corruption Policy PURPOSE This document sets out Control Risks policy on bribery and corruption. Control Risks is committed to the highest ethical standards, and vigorously enforces

More information

Anti-Bribery and Anti-Corruption Policy

Anti-Bribery and Anti-Corruption Policy Anti-Bribery and Anti-Corruption Policy New Gold Inc. and its subsidiaries (together, New Gold, the Company, or we ) are committed to honest and ethical conduct. This theme is emphasized in our Code of

More information

ANTI-CORRUPTION POLICY

ANTI-CORRUPTION POLICY ANTI-CORRUPTION POLICY BACKGROUND: Alcoa Corporation ( Alcoa ) and its management are committed to conducting all of it operations around the globe, ethically and in compliance with all applicable laws.

More information

Foreign Corrupt Practices Act Policy

Foreign Corrupt Practices Act Policy Policy Message from the CEO At SAExploration, we place a high value on honesty and integrity as well as delivering quality service to our customers. Our core values and commitment to high ethical standards

More information

Automatic Data Processing, Inc. ADP Anti-Bribery Policy

Automatic Data Processing, Inc. ADP Anti-Bribery Policy Automatic Data Processing, Inc. ADP Anti-Bribery Policy Adopted August 2008 Revised November 17, 2009 and August 9, 2011 Statement by Chief Executive Officer AUTOMATIC DATA PROCESSING, INC. ANTI-BRIBERY

More information

SASOL ANTI-BRIBERY POLICY

SASOL ANTI-BRIBERY POLICY SASOL ANTI-BRIBERY POLICY May 2018 Applicable to: All employees within the Sasol Group of Companies Next review date: Document owner: Approver: Date approved: June 2019 Ignatius Pohl Vuyo D. Kahla 2 March

More information

ANTI-CORRUPTION POLICY

ANTI-CORRUPTION POLICY Unofficial translation of the document approved by the Board of Directors of Salvatore Ferragamo S.p.A. on November 14, 2017 TABLE OF CONTENTS INTRODUCTION 1.1. COMMITMENT OF SALVATORE FERRAGAMO TO THE

More information

MacLean-Fogg Company Anti-Corruption Policy

MacLean-Fogg Company Anti-Corruption Policy MacLean-Fogg Company Anti-Corruption Policy EFFECTIVE DATE: October 1, 2017 OWNER: General Counsel POLICY NAME: MF-LC1.01-P-20171001-ANTICORRUPTION OUR STANDARD: Our position is clear: MacLean-Fogg is

More information

Prevention Of Corruption

Prevention Of Corruption Prevention Of Corruption Global Compliance Table Of Contents Standards Application page 6 Purpose page 5 Scope page 6 Bribery/Improper Payments, page 8 Ethical Business Practices, page 8 Unfair Business

More information

Code of Conduct & Anti-Bribery. Updated 23 March 2018

Code of Conduct & Anti-Bribery. Updated 23 March 2018 Code of Conduct & Anti-Bribery Updated 23 March 2018 1. Code of Conduct The below paragraphs on our Code of Conduct derive from the Shareholders Agreement (art. 4.5 and 4.6). It has been rewritten to make

More information

0230 ANTI-BRIBERY AND ANTI-CORRUPTION POLICY

0230 ANTI-BRIBERY AND ANTI-CORRUPTION POLICY 0230 ANTI-BRIBERY AND ANTI-CORRUPTION POLICY Revision 0 October 2013 P a g e 2 Name of Policy Contents A SUMMARY... 3 B APPLICABILITY... 3 C INTRODUCTION... 3 D DEFINITIONS... 4 E CONDUCT... 4 F GIFTS,

More information

Anti-Corruption and OFAC Policy for Apex International Energy G.P., Apex International Energy L.P. and their Subsidiaries (collectively, the Company )

Anti-Corruption and OFAC Policy for Apex International Energy G.P., Apex International Energy L.P. and their Subsidiaries (collectively, the Company ) November 22, 2016 Overview This Anti-Corruption and OFAC Policy (the Policy ) is applicable to Apex International Energy G.P., Apex International Energy L.P. and their subsidiaries (collectively, the Company

More information

Anti-Corruption Compliance Policy

Anti-Corruption Compliance Policy Anti-Corruption Compliance Policy I. Introduction Purpose Gibraltar s reputation in the marketplace - with customers, vendors, business partners, and with regulators and other legal authorities - is among

More information

MOBILE TELESYSTEMS PUBLIC JOINT STOCK COMPANY ANTI-CORRUPTION LAWS COMPLIANCE POLICY

MOBILE TELESYSTEMS PUBLIC JOINT STOCK COMPANY ANTI-CORRUPTION LAWS COMPLIANCE POLICY APPROVED by the resolution of the Board of Directors of Mobile TeleSystems Public Joint Stock Company December 20, 2016, Minutes No.255 MOBILE TELESYSTEMS PUBLIC JOINT STOCK COMPANY ANTI-CORRUPTION LAWS

More information

Anti-Bribery and Anti-Corruption Policy

Anti-Bribery and Anti-Corruption Policy Anti-Bribery and Anti-Corruption Policy New Gold Inc. and its subsidiaries (together, New Gold, the Company, or we ) are committed to honest and ethical conduct. This theme is emphasized in our Code of

More information

Meyer Sound Global Anti-Corruption Policy and Guidelines (as adopted on September 17, 2013)

Meyer Sound Global Anti-Corruption Policy and Guidelines (as adopted on September 17, 2013) Meyer Sound Global Anti-Corruption Policy and Guidelines (as adopted on September 17, 2013) I. INTRODUCTION Meyer Sound Laboratories, Inc. and its affiliated companies (collectively, Meyer Sound or the

More information

FORTERRA, INC. CODE OF ETHICS AND BUSINESS CONDUCT

FORTERRA, INC. CODE OF ETHICS AND BUSINESS CONDUCT I. Introduction and Purpose FORTERRA, INC. CODE OF ETHICS AND BUSINESS CONDUCT Forterra, Inc. and its subsidiaries (collectively, Forterra or the Company ) is committed to conducting its business with

More information

ANTI-CORRUPTION COMPLIANCE POLICY

ANTI-CORRUPTION COMPLIANCE POLICY ANTI-CORRUPTION COMPLIANCE POLICY Executive Summary UTEC International Limited and its subsidiaries (collectively, UTEC ) 1 embrace the highest standards of honesty, ethics, and integrity as core business

More information

ANTI-CORRUPTION MANUAL

ANTI-CORRUPTION MANUAL S E C U R I N G T H E F U T U R E ANTI-CORRUPTION MANUAL 2015 The guidance in the anti-corruption manual shall be applied by all Nammo employees and any other individual acting on Nammo s behalf. This

More information

ANTI CORRUPTION AND BRIBARY POLICY

ANTI CORRUPTION AND BRIBARY POLICY ANTI CORRUPTION AND BRIBARY POLICY 1. Introduction It is the general policy of Hughes and Salvidge Holdings limited incorporating Hughes and Salvidge Limited ( the Company ) to conduct all of our business

More information

Financial Crime Policy

Financial Crime Policy Financial Crime Policy Anti-Bribery and Corruption and Prevention of the Facilitation of Tax Evasion 1. Policy statement 1.1 This policy has been adopted by the Board of Capco and is to be communicated

More information

Anti-bribery, Gifts and Entertainment Policy and Procedures

Anti-bribery, Gifts and Entertainment Policy and Procedures Anti-bribery, Gifts and Entertainment Policy and Procedures 1 27.05.2014 Initial release of document ACH Board 2 26.01.2016 Revised and updated RaHa FrOh 3 07.06.2016 Revised and updated RaHa FrOh Rev

More information

Version 1. October, 2017

Version 1. October, 2017 Version 1. October, 2017 Contents 1. Purpose 1 2. Scope 1 3. Introduction 1 4. What is bribery and corruption? 2 5. What is a bribe? 2 6. Why are the policy and procedure important? 2 7. What is expected

More information

Risk Management and Compliance

Risk Management and Compliance POLICY Anti-Corruption and Bribery Policy Risk Management and Compliance approval of the original. INDEX 1. INTRODUCTION... 3 2. DEFINITIONS... 4 3. APPLICATION... 5 4. RESPONSIBILITIES... 5 5. PROHIBITION

More information

Anti-Corruption Compliance Policy in Ferronordic Machines LLC PP-04-LGL

Anti-Corruption Compliance Policy in Ferronordic Machines LLC PP-04-LGL 1 1. Principles and purposes Anti-Corruption Compliance Policy in Ferronordic Machines LLC Ferronordic Machines LLC (hereinafter FNM ) enjoys valuable reputation for corporate trustworthiness around the

More information

CODE OF BUSINESS CONDUCT

CODE OF BUSINESS CONDUCT CODE OF BUSINESS CONDUCT CONTENTS Introduction from Doug Duguid 2 What is the Code of Business Conduct? 3 Who Does the Code Apply to? 4 Business Partners, Agents and Business Representatives 5 What is

More information

Improper Payments. Section. Code of Ethics A. SUMMARY B. APPLICABILITY C. POLICY D. RESPONSIBILITIES E. PROCEDURES F. REFERENCES G.

Improper Payments. Section. Code of Ethics A. SUMMARY B. APPLICABILITY C. POLICY D. RESPONSIBILITIES E. PROCEDURES F. REFERENCES G. C O R P O R A T E P O L I C Y M A N U A L Section 48 Improper Payments A. SUMMARY B. APPLICABILITY C. POLICY D. RESPONSIBILITIES E. PROCEDURES F. REFERENCES G. REVIEW Code of Ethics Issued 11-1-02 Revised

More information

Document Type Doc ID Status Version Page/Pages. Policy LDMS_001_ Effective of 11 Title: Global Policy on Ethical Interactions

Document Type Doc ID Status Version Page/Pages. Policy LDMS_001_ Effective of 11 Title: Global Policy on Ethical Interactions Policy LDMS_001_00145767 Effective 6.0 1 of 11 AstraZeneca Owner Ageborg, Katarina Authors Shah, Himani Approvals Approval Reason Approver Date Reviewer Approval Shah, Himani 2015/04/10 13:40:28 Policy

More information

SAPIENT CORPORATION ANTI-CORRUPTION POLICY

SAPIENT CORPORATION ANTI-CORRUPTION POLICY SAPIENT CORPORATION ANTI-CORRUPTION POLICY PURPOSE As a global corporation, we are bound by the anti-bribery and anti-corruption laws applicable in all the countries where we do business, and are committed

More information

ARCELORMITTAL ANTI-CORRUPTION GUIDELINES

ARCELORMITTAL ANTI-CORRUPTION GUIDELINES ARCELORMITTAL ANTI-CORRUPTION GUIDELINES As an international company listed on several stock exchanges, ArcelorMittal wishes to ensure that in the course of its work its employees and any third parties

More information

Anti-Bribery, Anti- Corruption Policy

Anti-Bribery, Anti- Corruption Policy Anti-Bribery, Anti- Corruption Policy Reviewed by: B Carroll (Global Head of Compliance, Safety and Quality) Date: 21 Sep 2017 Approved by: A McLean (CEO) Date: 27 Sep 2017 Commercial-in-Confidence. All

More information

Global Anti-Bribery Policy

Global Anti-Bribery Policy Global Anti-Bribery Policy A. Introduction Power Corporation of Canada ( Power Corporation or the Corporation ) and its Board of Directors are committed to carrying out business worldwide ethically and

More information

Anti-bribery and corruption policy. The Perse School

Anti-bribery and corruption policy. The Perse School Anti-bribery and corruption policy The Perse School January 2019 Contents Introduction... 1 Gifts and hospitality... 2 Facilitating tax evasion... 4 Unacceptable behaviour... 6 Facilitation payments and

More information

Gifts and Entertainment Policy

Gifts and Entertainment Policy Gifts and Entertainment Policy This policy applies to all employees of and its subsidiaries (the Group ). PURPOSE The purposes of this policy are: (i) to identify and manage gifts and entertainment provided

More information

PPG GLOBAL ANTI-CORRUPTION POLICY

PPG GLOBAL ANTI-CORRUPTION POLICY PPG GLOBAL ANTI-CORRUPTION POLICY Introduction As a global company operating in over sixty countries, PPG is required to comply with a number of laws and regulations in order to lawfully conduct its business.

More information

Conflict of Interest Policy Board of Directors

Conflict of Interest Policy Board of Directors Conflict of Interest Policy Board of Directors Policy Owner: Legal Governance Approval: Board of Directors First Approved: March 26, 2003 Revision Approval: September 28, 2017 Effective Date: September

More information

Anti-Bribery and Anti-Corruption Policy

Anti-Bribery and Anti-Corruption Policy Anti-Bribery and Anti-Corruption Policy Kirkland Lake Gold Ltd. and its subsidiaries (together, Kirkland Lake Gold, the Company, or we ) are committed to honest and ethical conduct. This theme is emphasized

More information

Foreign Corrupt Practices Act Policy

Foreign Corrupt Practices Act Policy Foreign Corrupt Practices Act Policy Current as of April 1, 2015 IPM Headquarters 8401 Colesville Road, Suite 200 Silver Spring, MD 20910 USA Phone 1-301-608-2221 Fax 1-301-608-2241 www.ipmglobal.org Introduction

More information

CALIX, INC. ANTI-BRIBERY COMPLIANCE POLICY

CALIX, INC. ANTI-BRIBERY COMPLIANCE POLICY CALIX, INC. ANTI-BRIBERY COMPLIANCE POLICY 1.0 INTRODUCTION AND PURPOSE STATEMENT The Foreign Corrupt Practices Act ( FCPA ) is a US federal law that applies to both individuals and businesses. All Calix,

More information

CODE OF ETHICS AND BUSINESS CONDUCT

CODE OF ETHICS AND BUSINESS CONDUCT CODE OF ETHICS AND BUSINESS CONDUCT BW OFFSHORE PURPOSE The purpose of this code is to express BW Offshore s statement of its commitment and principles in connection with issues of ethical nature that

More information

Group Anti-Bribery and Anti-Corruption Policy

Group Anti-Bribery and Anti-Corruption Policy Group Anti-Bribery and Anti-Corruption Policy Updated and approved on 23 March 2016 INDEX 1. OUR COMMITMENT TO ETHICAL BUSINESS... 3 2. SCOPE... 3 3. OUR ANTI-BRIBERY PROCEDURES... 4 4. PROHIBITED BEHAVIOUR...

More information

SOUTHWESTERN ENERGY COMPANY ANTI-CORRUPTION COMPLIANCE POLICY

SOUTHWESTERN ENERGY COMPANY ANTI-CORRUPTION COMPLIANCE POLICY SOUTHWESTERN ENERGY COMPANY ANTI-CORRUPTION COMPLIANCE POLICY I. Introduction At Southwestern Energy Company, we and our controlled subsidiaries and joint ventures (collectively, SWN or the Company ) build

More information

Flint Group Anti-Bribery and Corruption Policy

Flint Group Anti-Bribery and Corruption Policy Flint Group Anti-Bribery and Corruption Policy I Introduction Integrity is one of Flint Group s guiding principles and it is important that every employee and company connected to Flint Group understands

More information

Anti-Bribery and Anti-Corruption Policy

Anti-Bribery and Anti-Corruption Policy Anti-Bribery and Anti-Corruption Policy (Applicable to all brands, divisions, joint ventures, subsidiaries, suppliers, directors and employees of Tsebo Solutions Group) 1. Introduction Tsebo Solutions

More information

ANTI-BRIBERY & CORRUPTION POLICY

ANTI-BRIBERY & CORRUPTION POLICY 1 INTRODUCTION 1.1 The Board of Directors of Ascendant Resources Inc. 1 has determined that, on the recommendation of the Corporate Governance Committee, Ascendant should formalise its policy on compliance

More information